Phillips v. Addison, No. 11-5100 (10th Cir. 2011)
Annotate this CasePro se prisoner Petitioner Eric Phillips applied for a certificate of appealability (COA) from the Tenth Circuit to challenge a district court's dismissal of his motion for post-conviction relief. After pleading guilty in Oklahoma state court to two counts each of first degree murder and unauthorized removal of a dead body, Petitioner was sentenced to life. He did not move to withdraw his plea or otherwise pursue direct appeal of his conviction. In late 2009, a state district court held a hearing to review Petitioner's sentence, but denied his request for modification. A member of Petitioner's family found him an attorney to challenge the outcome of the 2009 hearing. The attorney told Petitioner he believed Petitioner had a viable habeas claim, but miscalculated the filing deadline. Unable to actually prepare the claim himself, the attorney assisted Petitioner to file the habeas petition pro se. Petitioner filed the claim, but it was denied by the court as time-barred. Petitioner argued he was entitled to equitable tolling for the attorney's miscalculation. Finding that an inmate was entitled to statutory tolling of the limitations period when a properly filed application for post-conviction relief was pending, the Tenth Circuit found that Petitioner's application was indeed improperly filed. He was not therefore entitled to equitable tolling. The Court dismissed his application for a COA and dismissed his appeal.
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